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4700 - Waste Tire Program
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PR0522471
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COMPLIANCE INFO
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Last modified
3/22/2020 6:15:59 PM
Creation date
3/20/2020 9:13:11 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4700 - Waste Tire Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0522471
PE
4740
FACILITY_ID
FA0015291
FACILITY_NAME
EL CAMINO TIRES
STREET_NUMBER
2498
Direction
E
STREET_NAME
MAIN
STREET_TYPE
ST
City
STOCKTON
Zip
952056551
APN
15544005
CURRENT_STATUS
02
SITE_LOCATION
2498 E MAIN ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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CField
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EHD - Public
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1 $20,000.00 as and for Hazardous Waste civil penalties; <br /> 2 $40,000.00 as and for Underground Storage Tank civil penalties; <br /> 3 $20,000.00 as and for Waste Tire civil penalties. <br /> 4 and stayed for a period of SIX(6)years from the date of signing this document, on the following <br /> 5 conditions: <br /> 6 a. Defendant will not violate Health and Safety Code sections 25100 et seq., as <br /> 7 described in paragraph 3 - 3g above; <br /> 8 b. Defendant will not violate Health and Safety Code sections 25280 et seq., as <br /> 9 described in paragraph 4-4a above; <br /> 10 c. Defendant will not violate Business and Professions Code sections 17200 et seq., as <br /> 11 describe in paragraph 6 -6r above. <br /> 12 12. If all the conditions listed in paragraphs 3, 4, and 6 above are met, then SIX(6)years <br /> 13 from the filing date of this document,the stayed penalty shall be suspended permanently. <br /> 14 13. If all the conditions listed in paragraphs 3, 4, and 6 above are not met,then Plaintiff may <br /> 15 move this Court to further enjoin Defendants from any additional violations of any provision of this <br /> 16 Permanent Injunction and for imposition of the civil penalties as provided in Paragraph 11 for <br /> 17 violation of the Permanent Injunction. Upon a determination by this Court, Defendants shall be <br /> 18 liable for civil penalties as provided by law, including but not limited to Business and Professions <br /> 19 Code section 17206, for each violation of the provisions of the Permanent Injunction. <br /> 20 Any penalties or other relief sought by Plaintiff for such violations or alleged violations shall <br /> 21 be sought by noticed motion Plaintiff shall notify Defendants in writing of such alleged violations <br /> 22 and shall meet and confer with Defendants within twenty(20)business days of such written notice <br /> 23 prior to filing any such motion. The Parties shall negotiate in good faith in an effort to resolve any <br /> 24 further penalty assessments or other relief pursuant to this Paragraph without judicial intervention. <br /> 25 Defendants reserve all defenses in law and equity they may have with regard to any such violations <br /> 26 including the amount of any penalties sought. Appropriate weight to the number and egregiousness <br /> 27 of the violations will be given by the Prosecutor's office during this meet and confer provision. <br /> 28 14. Defendants are responsible for the uniform fee for filing the first paper in a civil action <br /> 7 <br /> PERMANENT INJUNCTION AND FINAL JUDGMENT PURSUANT TO STIPULATION <br />
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